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Rahman v. United States

District of Columbia Court of Appeals.
Apr 15, 2019
207 A.3d 178 (D.C. 2019)

Summary

explaining that the trial court did not abuse its discretion in finding that a report prepared by a special police officer working for McDonald's was not in the government's possession for purposes of the Jencks Act because there was "no evidence that it was ever provided to the prosecution or police, or that it was used as part of their investigation"

Summary of this case from Copeland v. United States

Opinion

17-CM-1293

04-15-2019

Jalil RAHMAN v. US


DECISION WITHOUT PUBLISHED OPINION

Affirmed.


Summaries of

Rahman v. United States

District of Columbia Court of Appeals.
Apr 15, 2019
207 A.3d 178 (D.C. 2019)

explaining that the trial court did not abuse its discretion in finding that a report prepared by a special police officer working for McDonald's was not in the government's possession for purposes of the Jencks Act because there was "no evidence that it was ever provided to the prosecution or police, or that it was used as part of their investigation"

Summary of this case from Copeland v. United States
Case details for

Rahman v. United States

Case Details

Full title:Jalil RAHMAN v. US

Court:District of Columbia Court of Appeals.

Date published: Apr 15, 2019

Citations

207 A.3d 178 (D.C. 2019)

Citing Cases

Williams v. United States

Trial courts are afforded considerable discretion in ruling on issues arising under the Jencks Act and Rule…

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The proper construction of a statute is a legal question that this court reviews de novo. See Rahman v.…